Opinion
2:22-cv-00504-GMN-BN2
04-21-2022
SHANNON G. SPLAINE, ESQ. Nevada Bar No. 8241 LINCOLN, GUSTAFSON & CERCOS, LLP James K. Schultz, Esq. (NV Bar No. 10219) SESSIONS, FISHMAN, NATHAN & ISRAEL, L.L.P. Attorneys for Defendant, AT&T Mobility, LLC
SHANNON G. SPLAINE, ESQ. Nevada Bar No. 8241 LINCOLN, GUSTAFSON & CERCOS, LLP James K. Schultz, Esq. (NV Bar No. 10219) SESSIONS, FISHMAN, NATHAN & ISRAEL, L.L.P. Attorneys for Defendant, AT&T Mobility, LLC
JOINT STIPULATION OF EXTENSION OF TIME TO RESPOND TO COMPLAINT
FIRST REQUESTED EXTENSION
NOW COMES defendant AT&T Mobility, LLC, (“AT&T”) by and through undersigned counsel, and plaintiff Sylvia Castuera, by and through undersigned 1
counsel, pursuant to Local Rule IA 6-1, hereby jointly stipulate and agree as follows:
WHEREAS, Plaintiff filed her Complaint on March 21, 2022;
WHEREAS, Defendant AT&T's deadline to respond to Plaintiff's Complaint was April 18, 2022;
WHEREAS, the Parties are re-filing the stipulation originally filed on April 14, 2022 to add additional content to comply with Local Rule IA 6-1;
WHEREAS, due to the recent retention of counsel, AT&T's counsel needs additional time to investigate and prepare a response to the Complaint and/or explore whether the matter can be quickly resolved;
WHEREAS, Plaintiff has agreed to give Defendant AT&T up through and including May 2, 2022, in which to respond to Plaintiff's Complaint;
WHEREAS, there are no other deadlines that are affected by this stipulation that are presently known to the parties;
WHEREAS, this stipulation is not entered into for any improper purpose or to delay and is the first request for extension by Defendant AT&T;
THEREFORE, Plaintiff and AT&T hereby stipulate and agree that AT&T may have up through May 2, 2022 in which to respond to Plaintiff's Complaint. 2
IT IS SO ORDERED 3